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Multichannel television in the United States

Multichannel television in the United States has been available since at least 1948. The United States is served by multichannel television through cable television systems, direct-broadcast satellite providers, and various other wireline video providers; among the largest television providers in the U.S. are DirecTV (including U-verse TV), Altice USA, Charter Communications (through its Spectrum division, which also includes the former Time Warner Cable and Bright House Networks systems), Comcast (through its Xfinity division), Dish Network, Verizon Communications (through its FiOS division), and Cox Communications.[1] The Telecommunications Act of 1996 defines a multichannel video programming distributor (MVPD) as "a person such as, but not limited to, a cable operator, a multichannel multipoint distribution service, a direct broadcast satellite service, or a television receive-only satellite program distributor, who makes available for purchase, by subscribers or customers, multiple channels of video programming", where a channel is defined as a "signaling path provided by a cable television system."[2]

While multichannel television initially served as a means to provide local television stations to customers who could not receive them over-the-air, the deployments of communications satellites made it financially feasible for broadcasters to distribute channels of national interest to cable, and later satellite television providers, such as superstations and premium television services. By 1980, 15 million of the approximately 80 million television-owning households in the U.S. subscribed to a multichannel television service. In the 1990s, digital multichannel services, such as direct-broadcast satellite and digital cable, experienced a surge in popularity due to their increased channel capacity.

As of 2017, approximately 79% of U.S. TV households had a television subscription; the market share of multichannel television began to erode in the mid-2010s due to the increasing popularity of subscription-based online video services, the increasing costs of these services due to the carriage fees demanded by major channels, as well as consumers intentionally dropping traditional television service in favor of alternatives such as subscription video on-demand (SVOD) services, and linear television services that are delivered entirely over the public internet, or never subscribing to such a service at all.[3][4]

Platforms Edit

Cable television Edit

John Walson of Mahanoy City, Pennsylvania was credited with having established the first cable television service in the U.S. in 1948. He created the service in order to improve the availability of television stations to those with poor reception due to tall mountains and buildings.[5]

The launch of communications satellites, such as Satcom I, enabled broadcasters to send out their programming nationally for hundreds of dollars per hour rather than costlier telephone lines[6] and microwave relay systems.[7] This development spurred the launched of prominent services intended for distribution by cable systems, such as HBO and fledgling Atlanta-based superstation WTCG. By 1980, 15 million of the 75–80 million U.S. homes with at least one television set had a cable television subscription, and one prediction was for that number to double by 1985.[6]

By 1981, eleven communications satellites were in use, and the Federal Communications Commission planned 24 to be in use by 1985. Most cable channels wanted space on Satcom I, since cable companies had receiving dishes aiming in that direction. In November 1981, Satcom III-R replaced Satcom I, which changed to voice and data distribution.[7]

Growth of satellite Edit

Some areas were too remote for cable or even any over-the-air reception, and other areas did not have a cable television system.[8] In the early days of home satellite dishes, the two types of service were low-power C-band service with large dishes 8 to 12 feet wide, and high-power Ku-band.[9][10]

In 1979, COMSAT announced a plan to allow viewers to receive programming directly from broadcast satellites, a concept called direct-broadcast satellite (DBS). This system would cost "hundreds of millions of dollars" and, at the time, was expected to be ready by the 1990s. Later, the company changed its target date to 1986. By 1983, the FCC had authorized several other companies to offer DBS service. These included CBS, RCA and Western Union, as well as Rupert Murdoch-led Skyband. Unlike the larger television receive-only dishes, DBS used higher-powered satellites with smaller, more affordable dishes that were two to three feet wide.[11]

On November 16, 1983, the first DBS service, with 50 customers paying $39.95 a month for five channels in the Indianapolis, Indiana area, was launched by United Satellite Communications Inc. (USCI), a joint venture of Prudential Insurance, General Instrument and investors that included Francesco Galesi. USCI did not wait for more powerful satellite technology, but instead used the Canadian Anik C2. The company also signed an agreement with ESPN and made programming arrangements with distributors rather than existing cable channels. Similar to British Sky Broadcasting (and its predecessors Sky Television and British Satellite Broadcasting) in the United Kingdom, USCI also maintained its own in-house channels: these included two premium channels – USCI Movietime (focusing entirely on feature films) and USCI Showcase (which offered a mix of films and specials similar to the formats of HBO and Showtime) – USCI TV Time (which featured a mix of children's and cultural programs, classic television series and movies) and Video Music (a music video channel similar to MTV). While cable could provide more channels at a cheaper rate, cable was too expensive to offer in rural areas. Also, cable was not yet available in larger cities such as Philadelphia and Chicago. USCI president Nathaniel Kwit stated that 30 million people would never be served by cable companies, and DBS would have 5 million subscribers by 1990.[11][12][13][14] One prediction for USCI was for 2.4 million customers by 1986.[15] With little success in Indiana, USCI began looking to Washington, D.C., Baltimore and Philadelphia. Early in 1984, USCI expanded into 15 markets in the Northeast and Midwest. At first, USCI leased its equipment because people might be reluctant to buy an unproven technology, but the company later sold its dishes. COMSAT planned to compete with USCI, offering lower prices, but lost its backing from CBS in June 1984.[13][16][17]

Of the eight original companies planning DBS service, none had a working system by the start of 1985. The expected cost of entering the market ranged from $200 to $500 million, with $100 million required to put a satellite in orbit. Only Direct Broadcast Satellite Corp., United States Satellite Broadcasting and Dominion Satellite Network still had plans to go ahead, while RCA was looking at changes in its system. Even USCI, which used a Canadian satellite that did not require FCC approval to use, was in trouble. The company had the capability to serve 52 percent of people in the United States but after a year, USCI had only 11,000 customers. USCI's inability to get channels such as CNN, along with a monthly cost of at least $24.95, in addition to the $400 to $700 for the receiver needed to pick up a still-weak signal, kept the numbers low.[16][17] Another problem was that HBO and other channels used C-band while USCI was Ku-band.[15] USCI needed a significantly higher amount of money and began looking at possible mergers. The company could not afford to expand and it had been unable to strike deals with other companies, so its service ended without warning on April 1, 1985.[18] USCI filed for bankruptcy, and one company offered to convert USCI dishes to C-band.[19] People were allowed to keep their dishes; half had bought them and half had leased them, however it was unclear who if anyone would provide the service.[15]

In October 1984, the U.S. Congress passed the Cable Communications Act of 1984, which gave those using dishes the right to see signals for free unless they were scrambled, and required those who did scramble to make their signals available for a fee.[20][21] Since cable channels could prevent reception by big dishes, other companies had an incentive to offer competition. Dominion planned inspirational programming, USSB intended to sell dishes with three channels of free programming, and Direct Broadcast Satellite Corp. would be a common carrier airing programming from those who paid.[16]

In 1992, nearly all MVPD[clarification needed] customers had cable television service.[22] In 1994, PrimeStar, DirecTV and USSB began offering digital satellite service. With one million subscribers in 18 months, digital direct broadcast satellite set a record for the quickest acceptance of a new technology; by comparison, it took four years before the VCR sold one million units. EchoStar and AlphaStar debuted in 1996.[23] 2.2 million people subscribed to C-band service requiring 6-foot dishes costing as much as $1,500; this number remained steady, while digital satellite service with 18-inch dishes experienced phenomenal growth, reaching 4.5 million subscribers by the end of 1996, up by about two million subscribers in a year. Cable television services had 65 million subscribers, but were already starting to see customers switch to satellite. Satellite television offered more channels than cable did at the time due to limited headend capacity, although broadcast networks were not allowed if their affiliates could be received with an antenna. DirecTV and USSB had 2.5 million subscribers, while PrimeStar, with 27-inch dishes that could be rented rather than purchased, had 1.6 million subscribers.[23] Cable companies responded to the success of satellite by adopting digital cable services that offered more channels, and required the use of digital set-top boxes. They also owned a share of PrimeStar, because offering cable in rural areas was deemed to be too expensive.[23]

In 1996, the FCC said local zoning laws could not prevent most smaller dishes. Another advancement in satellite TV came with the Satellite Home Viewer Improvement Act of 1999 (SHVIA), which allowed local channels to be included in satellite TV packages. Previously, this was only possible if an area had no local broadcast network affiliates.[24]

A January 8, 2001 report commissioned by the FCC stated that in the year ending June 2000, the number of satellite subscribers had increased from 10.1 million to 13 million people, an increase three times that of cable. Satellite represented 15.4 percent of those paying for television service, while the percentage of those who had cable dropped from 82% to 80%. Cable charges increased at a rate 50% higher than the Consumer Price Index.[25]

By 2012, satellite dishes accounted for 30% of the pay television market.[22]

Wireline and broadband Edit

In 2005, Verizon Communications launched FiOS, a new suite of television, internet, and phone services delivered over a fiber-optic infrastructure.[26] In 2006, AT&T followed suit with the introduction of U-verse.[27]

Virtual MVPD, TV Everywhere, and over-the-top media services Edit

The subscription television market in the U.S. began to erode in the 2010s due to multiple factors. Some have cited higher costs due to deregulation of cable television and tied selling practices (which force subscribers to pay monthly for a large bundle of unwanted channels to receive a few desired programs).[28][29] Over-the-top video on demand services, such as Netflix, have also appealed to changing viewing habits, such as the growth of mobile device usage for media consumption. The market trend of cord cutters has seen viewers cutting back or dropping their television subscriptions in favor of using a mixture of sources, such as terrestrial television and internet streaming services, as an alternative.[30][31]

The multichannel television industry began to employ efforts to entice potential cord cutters, such as "TV Everywhere"—a concept which allows subscribers to participating television channels to access their on-demand and live programming through websites and mobile apps tied to a user account.[31] In 2015, Dish Network announced a service known as Sling TV, a streaming, multichannel video service (virtual MVPD or vMVPD) offering a focused selection of popular cable networks, delivered via apps for mobile devices and other digital media players over the internet. By 2018, the service had reached 2 million subscribers, and prompted the launch of competitors from AT&T (DirecTV Now, which had reached 1 million), Hulu, Sony (PlayStation Vue) and YouTube TV.[32][33][34][35] By 2019 Q3, analysts estimated vMVPDs have nearly 9 million subscribers in the United States.[36]

Comcast introduced a streaming television service as a lower-cost alternative to their main service, delivered through managed networks as part of their internet services. Similarly, Time Warner Cable trialled the use of Roku devices as a set-top box in 2015.[37][38] In October 2015, TWC began to trial a service under which subscribers are given a Roku 3 digital media player to access their service via the supplied TWC app, rather than a traditional set-top box. A TWC spokesperson emphasized that this offering would provide "the same TV and same packages delivered to the home today", but delivered over TWC-managed internet rather than a cable line.[39][40][41]

With the mass proliferation of over-the-top subscription services intending to compete with legacy players, analysts have argued that the market is becoming too fragmented, and giving consumers "fatigue" over the sheer number of options.[42][43]

A 2019 Leichtman Research Group study involving 6,715 households showed that 43 percent of vMVPD subscribers changed from a traditional MVPD. 17 percent dropped their previous vMVPD for another one, 25 percent also had a linear service, and 15 percent had never used a traditional MVPD. 71 percent of vMVPD users, the study said, were in the 18-44 group, in which 16 percent used a vMVPD. Only 6 percent of those over 45 used a vMVPD.[44]

Regulation Edit

In 1972, the Federal Communications Commission (FCC) established basic regulations for cable providers, including franchise and technical standards, and requiring them to register for a certificate of compliance before operation.[45]

The Cable Communications Policy Act of 1984, otherwise known as the Cable Act, enacted further policies for the regulation of cable systems. The act established standards for the operational standards and development of cable systems, and gave municipalities the authority to grant and renew cable system franchises based on compliance with them and stated plans for future development. It stated that cable systems should reflect the needs of local communities in order to provide "the widest possible diversity of information sources and services". It recommended that local and state authorities encourage the establishment of Public, educational, and government access networks. The act also prevented the FCC and states from regulating the cost of cable service if they had "effective competition" from a large number of unique broadcast services (however, all existing cable systems qualified under this criteria, which allowed them to raise their prices).[45][46][47]

In 1992, Congress passed the Cable Television Consumer Protection and Competition Act that was designed to promote competition and consumer protection in the cable television industry. The act mandated that cable providers carry all local full-power or otherwise qualified broadcast television stations on their service. However, commercial stations have the option to opt-out of must-carry, and require financial compensation for their carriage instead. It also required cable networks operated by cable companies to offer their carriage to competing satellite providers at reasonable rates if they used satellites as part of their distribution path. The act also narrowed the standard required for prohibiting rate regulation, requiring the provider to serve less than 30% of their franchise area, or two unaffiliated providers, serving at least 50% of the area, serve at least 15% of the market.[48][49][50][51]

The Telecommunications Act of 1996 amended Section 602 (13) of the Communications Act of 1934 to define a "Multichannel video programming distributor" (MVPD) as "a person such as, but not limited to, a cable operator, a multichannel multipoint distribution service, a direct broadcast satellite service, or a television receive-only satellite program distributor, who makes available for purchase, by subscribers or customers, multiple channels of video programming", where a channel is defined as a "signaling path provided by a cable television system."[2]

Certain cable provider-owned regional sports networks worked around the program access rules by deliberately excluding satellites from their distribution path. This allowed them to restrict the carriage of these lucrative networks by competing providers, thus providing a selling point for their service. In 2010, the FCC removed this particular exception to the program access rules. The action was based on a complaint by AT&T that Cox Communications was unduly affecting the marketability of their services in San Diego, by not allowing them to carry the Cox-owned 4SD—the local rightsholder of San Diego Padres baseball.[48][49]

Regulation of set-top boxes Edit

Under the Telecommunications Act of 1996, the FCC was instructed to develop a means for television providers to offer a standalone conditional access module for digital cable services, in order to allow third-party devices to access the services as an alternative to a proprietary set-top box provisioned by the MVPD. In 1998, the FCC ordered that a modular security component must be made available by July 1, 2000, and that cable providers must phase out the provision of hardware with integrated conditional access or security functions by January 1, 2005.[52] An industry consortium known as CableLabs officially introduced a standard known as CableCARD in 2003 to comply with this mandate. These cards could be inserted into slots on devices such as televisions and digital video recorders to allow access to digital cable channels without a set-top box. CableCARDs were cheaper to rent than a cable box. but the first version of the standard did not support two-way communications for interactive services such as video on-demand or pay-per-view facilities, thus giving the system a disadvantage over cable boxes.[53][54][55]

The integration ban was delayed until (and officially took effect on) July 1, 2007. The cable industry lobbied for the ban to be delayed, citing factors such as a lack of demand for the CableCARDs (a factor induced by the cost of devices which supported them), as well as its limitations on two-way services—especially due to the growing video on-demand market, and switched video—a technique that enabled an increase in capacity for high-definition channels.[54][56] In 2008, the industry attempted to adopt a middleware standard known as tru2way, which did not require a smart card and would support two-way services delivered directly to devices. However, tru2way had limited to no consumer adoption; despite most major providers pledging to deploy it by mid-2009, Panasonic only sold compatible televisions in three Comcast test markets before discontinuing them in 2010 in favor of a set-back box.[54][55][57][58][59] The integration ban was repealed in 2015 as a condition of the STELA Reauthorization Act of 2014.[55][60][61]

In 2010, the FCC issued a notice of inquiry proposing a concept known as AllVid, which involved the introduction of "adapters" that would abstract television services from the devices which deliver them, allowing the development of devices that could converge subscription television with internet video. The FCC stated that it was "not convinced that the tru2way solution will assure the development of a commercial retail market as directed by Congress."[62] Despite support by major firms such as Sony and Google (the latter having recently launched a digital media player platform known as Google TV), AllVid was widely-opposed by the multichannel industry, as well as the Motion Picture Association of America (who argued that copyright infringing media sources could be presented alongside legitimate options in search interfaces).[63][64][65][66]

Also in 2010, the U.S. government passed the Twenty-First Century Communications and Video Accessibility Act, which requires that televisions and MVPD set-top boxes be accessible to those who are blind and visually impaired, including support for audio description.[67]

In 2016, the FCC, under chairman Tom Wheeler, voted 3-2 to authorize a notice of proposed rulemaking proposing that MVPDs be required to make their programming and other related data "be available to the creators of competitive solutions using any published, transparent format that conforms to specifications set by an independent, open standards body."[68] The cable industry opposed this proposal, due to the lack of control they would have on the user experience (citing the possibility that third-party developers could inject their own advertising into the interface, even though the proposal specified that there would be regulations against this).[68] They instead proposed an industry commitment for television providers with more than 1 million subscribers to develop apps to access their services on major connected devices, using HTML5 standards. Public Knowledge questioned the proposal, arguing that the provision of the apps and "whether consumers would need a broadband connection to access video programming instead of leveraging their existing pay TV connections" were unclear, and that it "does not allow for many features that consumers want, such as home recording, and it does not allow for true user interface competition."[69] In January 2017, new Trump administration FCC commissioner Ajit Pai (who voted against it) removed Wheeler's set-top box proposal from the FCC's items on circulation.[65]

In 2020, the FCC withdrew the requirement for television providers to specifically support CableCARD, citing changes in the industry and a lack of consumer interest. The FCC still mandates that MVPDs must still offer "separable security".[70]

Linear online video providers Edit

The increasing prominence of linear IPTV services delivered entirely over the public internet (also referred to as an "over-the-top" television service, "linear online video provider" (OVD), or "virtual MVPD"[71][72]) has led to questions over whether they can be regulated by the FCC in the same way as traditional television providers.[73] A key sticking point is the established standard in case law, that a television provider must control the entire infrastructure used to distribute their channels in order to be classified as a multichannel video programming distributor (which does not take into account the public internet).[2]

Sky Angel, a Christian over-the-top IPTV service which formerly operated as a satellite provider, was faced with multiple carriage disputes over the changes. In 2009, C-SPAN was pulled only 2 days after it was added, with the network citing contractual issues which prevented Sky Angel from streaming the channel. Sky Angel filed antitrust lawsuits against C-SPAN in 2012 and 2013, claiming that its ownership group (which is composed of competing television providers) was colluding against Sky Angel to protect their business, and pointed out that C-SPAN already streamed its programming online for free. The suits were dismissed for presenting insufficient evidence of antitrust violations.[74][75]

In 2010, Discovery Communications also pulled its networks from Sky Angel, prompting the provider to file a formal complaint under the Cable Television Consumer Protection and Competition Act. Sky Angel argued that Discovery was discriminating against its service, because it had allowed other providers to stream its programming online through other manners (such as TV Everywhere services). The FCC denied the complaint, but its Media Bureau acknowledged that OVDs did not formally fall under the definition of an MVPD because they did not control a physical transmission path. Sky Angel was thus ineligible for protections under the program access rules and other relevant laws, but the Media Bureau did open a discussion on whether an OVD could qualify as an MVPD. Members of the cable industry supported this historic interpretation of the law, while it was also argued that classifying streaming services as MVPDs would increase regulatory burden and discourage innovation by digital services.[2][76][77][78]

Another prominent case was that of Aereo; the service allowed users to rent an antenna from a centralized location, and stream feeds of local broadcast television channels received via the antenna. By doing so, Aereo argued that its service was a placeshifting solution that rented access to hardware, and thus did not require permission from broadcasters to retransmit their programming. However, the U.S. Supreme Court ruled in American Broadcasting Cos. v. Aereo, Inc. that this violated copyright law, as the streams still constituted an unauthorized public performance, and that despite claims to the contrary, its business model was substantially similar to that of a cable television provider (but the Court did not go as far as claiming Aereo was an MVPD).[79][80] The company attempted to use this ruling in an effort to apply for a compulsory license from the U.S. Copyright Office instead. However, international treaties forbid the establishment of blanket licenses for streaming broadcast television stations over the internet, thus the Copyright Office ruled that this was outside of its scope.[81][82][83][84][85]

In 2019, a similar service emerged known as Locast. Unlike Aereo, it was run by a non-profit advocacy group rather than a commercial entity, and asserts itself as being a non-profit broadcast relay station (which are exempted under U.S. copyright law) that collected donations from users to cover the "actual and reasonable costs" of providing the relay. Locast was a free service, but periodically interrupted programming to solicit for donations until one was made.[86] In September 2021, the service shut down after U.S District Court Judge Louis Stanton denied a request by Locast for a summary judgment in a similar lawsuit brought upon by the networks. Stanton described Locast's periodic interruptions as being a "charge" and "not merely a recurring gift to a charitable cause", and also singled out that the company had derived revenue double its operating expenses, and had stated that it planned to use its donations to cover expansion (which is not covered by the exemption in copyright law).[87][88][89]

Programming Edit

Carriage and cost of service Edit

Many cable channels charge providers fees in order to carry their content. The fee that the cable service provider must pay to a cable television channel can vary depending on whether it is a basic or premium channel and the perceived popularity of that channel. As providers are not required to carry all channels, they may negotiate the fee they will pay for carriage of particular services. Typically, more popular channels command higher fees; for example, ESPN typically charges $10 per month for its suite of networks ($7 for the main channel alone), by far the highest of any non-premium American cable channel, comparable to the premium channels, and rising rapidly.[90] ESPN and other regional sports networks, as well as retransmission consent negotiations by broadcast television outlets, have frequently been cited as contributing to the increasing cost of television subscriptions.[28][29]

Statistics Edit

Largest ad-supported cable channels Edit

Top 10 advertising-supported cable channels by viewership (2016)[91]
Rank Channel Avg. Viewers
1. Fox News Channel 2,480,000
2. ESPN 1,910,000
3. USA Network 1,680,000
4. TBS 1,590,000
5. HGTV 1,580,000
6. TNT 1,550,000
7. Discovery Channel 1,400,000
8. History 1,330,000
9. Disney Channel 1,320,000
10. CNN 1,300,000

Top multichannel video service providers in the United States by number of subscribers Edit

  • All data from Leichtman Research Group, Inc. as of the end of Q1 2023, except where otherwise noted[92]
Rank Company Brand Total subscribers Technology Date/source
1 Comcast Xfinity 14,980,000 Cable Q2 2023[93]
2 Charter Communications Spectrum 14,700,000 Cable Q2 2023[94]
3 DirecTV DirecTV; U-verse TV; DirecTV Stream 12,750,000 Satellite; IPTV OTT Q1 2023
4 Dish Network Dish Network 6,900,000 Satellite Q2 2023[95]
5 YouTube (Google) YouTube TV 6,600,000 OTT Q2 2023[96]
6 Disney Hulu + Live TV 4,300,000 OTT Q2 2023[97]
7 Verizon Fios 3,225,000 Fiber Q1 2023
8 Cox Communications Contour 3,050,000 Cable Q1 2023
9 Altice USA Optimum 2,475,800 Cable Q1 2023
10 Dish Network Sling TV 2,000,000 OTT Q2 2023[95]
11 FuboTV FuboTV 1,167,000 OTT Q2 2023[98]
12 Mediacom Xtream 510,000 Cable Q1 2023
13 Cogeco Breezeline 300,684 Cable Q1 2023
14 Frontier Communications Frontier Fiber 288,000 Fiber Q1 2023
15 Cable One Sparklight 167,000 Cable Q1 2023

See also Edit

References Edit

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External links Edit

  • 2005 Annual FCC Assessment of the Status of Competition in the Market for the Delivery of Video Programming[needs update]

multichannel, television, united, states, been, available, since, least, 1948, united, states, served, multichannel, television, through, cable, television, systems, direct, broadcast, satellite, providers, various, other, wireline, video, providers, among, la. Multichannel television in the United States has been available since at least 1948 The United States is served by multichannel television through cable television systems direct broadcast satellite providers and various other wireline video providers among the largest television providers in the U S are DirecTV including U verse TV Altice USA Charter Communications through its Spectrum division which also includes the former Time Warner Cable and Bright House Networks systems Comcast through its Xfinity division Dish Network Verizon Communications through its FiOS division and Cox Communications 1 The Telecommunications Act of 1996 defines a multichannel video programming distributor MVPD as a person such as but not limited to a cable operator a multichannel multipoint distribution service a direct broadcast satellite service or a television receive only satellite program distributor who makes available for purchase by subscribers or customers multiple channels of video programming where a channel is defined as a signaling path provided by a cable television system 2 While multichannel television initially served as a means to provide local television stations to customers who could not receive them over the air the deployments of communications satellites made it financially feasible for broadcasters to distribute channels of national interest to cable and later satellite television providers such as superstations and premium television services By 1980 15 million of the approximately 80 million television owning households in the U S subscribed to a multichannel television service In the 1990s digital multichannel services such as direct broadcast satellite and digital cable experienced a surge in popularity due to their increased channel capacity As of 2017 approximately 79 of U S TV households had a television subscription the market share of multichannel television began to erode in the mid 2010s due to the increasing popularity of subscription based online video services the increasing costs of these services due to the carriage fees demanded by major channels as well as consumers intentionally dropping traditional television service in favor of alternatives such as subscription video on demand SVOD services and linear television services that are delivered entirely over the public internet or never subscribing to such a service at all 3 4 Contents 1 Platforms 1 1 Cable television 1 2 Growth of satellite 1 3 Wireline and broadband 1 4 Virtual MVPD TV Everywhere and over the top media services 2 Regulation 2 1 Regulation of set top boxes 2 2 Linear online video providers 3 Programming 3 1 Carriage and cost of service 4 Statistics 4 1 Largest ad supported cable channels 4 2 Top multichannel video service providers in the United States by number of subscribers 5 See also 6 References 7 External linksPlatforms EditSee also Multi channel transition Post network era and Golden Age of Television 2000s present Cable television Edit See also Cable television in the United States John Walson of Mahanoy City Pennsylvania was credited with having established the first cable television service in the U S in 1948 He created the service in order to improve the availability of television stations to those with poor reception due to tall mountains and buildings 5 The launch of communications satellites such as Satcom I enabled broadcasters to send out their programming nationally for hundreds of dollars per hour rather than costlier telephone lines 6 and microwave relay systems 7 This development spurred the launched of prominent services intended for distribution by cable systems such as HBO and fledgling Atlanta based superstation WTCG By 1980 15 million of the 75 80 million U S homes with at least one television set had a cable television subscription and one prediction was for that number to double by 1985 6 By 1981 eleven communications satellites were in use and the Federal Communications Commission planned 24 to be in use by 1985 Most cable channels wanted space on Satcom I since cable companies had receiving dishes aiming in that direction In November 1981 Satcom III R replaced Satcom I which changed to voice and data distribution 7 Growth of satellite Edit Main article Satellite television in the United States Some areas were too remote for cable or even any over the air reception and other areas did not have a cable television system 8 In the early days of home satellite dishes the two types of service were low power C band service with large dishes 8 to 12 feet wide and high power Ku band 9 10 In 1979 COMSAT announced a plan to allow viewers to receive programming directly from broadcast satellites a concept called direct broadcast satellite DBS This system would cost hundreds of millions of dollars and at the time was expected to be ready by the 1990s Later the company changed its target date to 1986 By 1983 the FCC had authorized several other companies to offer DBS service These included CBS RCA and Western Union as well as Rupert Murdoch led Skyband Unlike the larger television receive only dishes DBS used higher powered satellites with smaller more affordable dishes that were two to three feet wide 11 On November 16 1983 the first DBS service with 50 customers paying 39 95 a month for five channels in the Indianapolis Indiana area was launched by United Satellite Communications Inc USCI a joint venture of Prudential Insurance General Instrument and investors that included Francesco Galesi USCI did not wait for more powerful satellite technology but instead used the Canadian Anik C2 The company also signed an agreement with ESPN and made programming arrangements with distributors rather than existing cable channels Similar to British Sky Broadcasting and its predecessors Sky Television and British Satellite Broadcasting in the United Kingdom USCI also maintained its own in house channels these included two premium channels USCI Movietime focusing entirely on feature films and USCI Showcase which offered a mix of films and specials similar to the formats of HBO and Showtime USCI TV Time which featured a mix of children s and cultural programs classic television series and movies and Video Music a music video channel similar to MTV While cable could provide more channels at a cheaper rate cable was too expensive to offer in rural areas Also cable was not yet available in larger cities such as Philadelphia and Chicago USCI president Nathaniel Kwit stated that 30 million people would never be served by cable companies and DBS would have 5 million subscribers by 1990 11 12 13 14 One prediction for USCI was for 2 4 million customers by 1986 15 With little success in Indiana USCI began looking to Washington D C Baltimore and Philadelphia Early in 1984 USCI expanded into 15 markets in the Northeast and Midwest At first USCI leased its equipment because people might be reluctant to buy an unproven technology but the company later sold its dishes COMSAT planned to compete with USCI offering lower prices but lost its backing from CBS in June 1984 13 16 17 Of the eight original companies planning DBS service none had a working system by the start of 1985 The expected cost of entering the market ranged from 200 to 500 million with 100 million required to put a satellite in orbit Only Direct Broadcast Satellite Corp United States Satellite Broadcasting and Dominion Satellite Network still had plans to go ahead while RCA was looking at changes in its system Even USCI which used a Canadian satellite that did not require FCC approval to use was in trouble The company had the capability to serve 52 percent of people in the United States but after a year USCI had only 11 000 customers USCI s inability to get channels such as CNN along with a monthly cost of at least 24 95 in addition to the 400 to 700 for the receiver needed to pick up a still weak signal kept the numbers low 16 17 Another problem was that HBO and other channels used C band while USCI was Ku band 15 USCI needed a significantly higher amount of money and began looking at possible mergers The company could not afford to expand and it had been unable to strike deals with other companies so its service ended without warning on April 1 1985 18 USCI filed for bankruptcy and one company offered to convert USCI dishes to C band 19 People were allowed to keep their dishes half had bought them and half had leased them however it was unclear who if anyone would provide the service 15 In October 1984 the U S Congress passed the Cable Communications Act of 1984 which gave those using dishes the right to see signals for free unless they were scrambled and required those who did scramble to make their signals available for a fee 20 21 Since cable channels could prevent reception by big dishes other companies had an incentive to offer competition Dominion planned inspirational programming USSB intended to sell dishes with three channels of free programming and Direct Broadcast Satellite Corp would be a common carrier airing programming from those who paid 16 In 1992 nearly all MVPD clarification needed customers had cable television service 22 In 1994 PrimeStar DirecTV and USSB began offering digital satellite service With one million subscribers in 18 months digital direct broadcast satellite set a record for the quickest acceptance of a new technology by comparison it took four years before the VCR sold one million units EchoStar and AlphaStar debuted in 1996 23 2 2 million people subscribed to C band service requiring 6 foot dishes costing as much as 1 500 this number remained steady while digital satellite service with 18 inch dishes experienced phenomenal growth reaching 4 5 million subscribers by the end of 1996 up by about two million subscribers in a year Cable television services had 65 million subscribers but were already starting to see customers switch to satellite Satellite television offered more channels than cable did at the time due to limited headend capacity although broadcast networks were not allowed if their affiliates could be received with an antenna DirecTV and USSB had 2 5 million subscribers while PrimeStar with 27 inch dishes that could be rented rather than purchased had 1 6 million subscribers 23 Cable companies responded to the success of satellite by adopting digital cable services that offered more channels and required the use of digital set top boxes They also owned a share of PrimeStar because offering cable in rural areas was deemed to be too expensive 23 In 1996 the FCC said local zoning laws could not prevent most smaller dishes Another advancement in satellite TV came with the Satellite Home Viewer Improvement Act of 1999 SHVIA which allowed local channels to be included in satellite TV packages Previously this was only possible if an area had no local broadcast network affiliates 24 A January 8 2001 report commissioned by the FCC stated that in the year ending June 2000 the number of satellite subscribers had increased from 10 1 million to 13 million people an increase three times that of cable Satellite represented 15 4 percent of those paying for television service while the percentage of those who had cable dropped from 82 to 80 Cable charges increased at a rate 50 higher than the Consumer Price Index 25 By 2012 satellite dishes accounted for 30 of the pay television market 22 Wireline and broadband Edit In 2005 Verizon Communications launched FiOS a new suite of television internet and phone services delivered over a fiber optic infrastructure 26 In 2006 AT amp T followed suit with the introduction of U verse 27 Virtual MVPD TV Everywhere and over the top media services Edit The subscription television market in the U S began to erode in the 2010s due to multiple factors Some have cited higher costs due to deregulation of cable television and tied selling practices which force subscribers to pay monthly for a large bundle of unwanted channels to receive a few desired programs 28 29 Over the top video on demand services such as Netflix have also appealed to changing viewing habits such as the growth of mobile device usage for media consumption The market trend of cord cutters has seen viewers cutting back or dropping their television subscriptions in favor of using a mixture of sources such as terrestrial television and internet streaming services as an alternative 30 31 The multichannel television industry began to employ efforts to entice potential cord cutters such as TV Everywhere a concept which allows subscribers to participating television channels to access their on demand and live programming through websites and mobile apps tied to a user account 31 In 2015 Dish Network announced a service known as Sling TV a streaming multichannel video service virtual MVPD or vMVPD offering a focused selection of popular cable networks delivered via apps for mobile devices and other digital media players over the internet By 2018 the service had reached 2 million subscribers and prompted the launch of competitors from AT amp T DirecTV Now which had reached 1 million Hulu Sony PlayStation Vue and YouTube TV 32 33 34 35 By 2019 Q3 analysts estimated vMVPDs have nearly 9 million subscribers in the United States 36 Comcast introduced a streaming television service as a lower cost alternative to their main service delivered through managed networks as part of their internet services Similarly Time Warner Cable trialled the use of Roku devices as a set top box in 2015 37 38 In October 2015 TWC began to trial a service under which subscribers are given a Roku 3 digital media player to access their service via the supplied TWC app rather than a traditional set top box A TWC spokesperson emphasized that this offering would provide the same TV and same packages delivered to the home today but delivered over TWC managed internet rather than a cable line 39 40 41 With the mass proliferation of over the top subscription services intending to compete with legacy players analysts have argued that the market is becoming too fragmented and giving consumers fatigue over the sheer number of options 42 43 A 2019 Leichtman Research Group study involving 6 715 households showed that 43 percent of vMVPD subscribers changed from a traditional MVPD 17 percent dropped their previous vMVPD for another one 25 percent also had a linear service and 15 percent had never used a traditional MVPD 71 percent of vMVPD users the study said were in the 18 44 group in which 16 percent used a vMVPD Only 6 percent of those over 45 used a vMVPD 44 Regulation EditIn 1972 the Federal Communications Commission FCC established basic regulations for cable providers including franchise and technical standards and requiring them to register for a certificate of compliance before operation 45 The Cable Communications Policy Act of 1984 otherwise known as the Cable Act enacted further policies for the regulation of cable systems The act established standards for the operational standards and development of cable systems and gave municipalities the authority to grant and renew cable system franchises based on compliance with them and stated plans for future development It stated that cable systems should reflect the needs of local communities in order to provide the widest possible diversity of information sources and services It recommended that local and state authorities encourage the establishment of Public educational and government access networks The act also prevented the FCC and states from regulating the cost of cable service if they had effective competition from a large number of unique broadcast services however all existing cable systems qualified under this criteria which allowed them to raise their prices 45 46 47 In 1992 Congress passed the Cable Television Consumer Protection and Competition Act that was designed to promote competition and consumer protection in the cable television industry The act mandated that cable providers carry all local full power or otherwise qualified broadcast television stations on their service However commercial stations have the option to opt out of must carry and require financial compensation for their carriage instead It also required cable networks operated by cable companies to offer their carriage to competing satellite providers at reasonable rates if they used satellites as part of their distribution path The act also narrowed the standard required for prohibiting rate regulation requiring the provider to serve less than 30 of their franchise area or two unaffiliated providers serving at least 50 of the area serve at least 15 of the market 48 49 50 51 The Telecommunications Act of 1996 amended Section 602 13 of the Communications Act of 1934 to define a Multichannel video programming distributor MVPD as a person such as but not limited to a cable operator a multichannel multipoint distribution service a direct broadcast satellite service or a television receive only satellite program distributor who makes available for purchase by subscribers or customers multiple channels of video programming where a channel is defined as a signaling path provided by a cable television system 2 Certain cable provider owned regional sports networks worked around the program access rules by deliberately excluding satellites from their distribution path This allowed them to restrict the carriage of these lucrative networks by competing providers thus providing a selling point for their service In 2010 the FCC removed this particular exception to the program access rules The action was based on a complaint by AT amp T that Cox Communications was unduly affecting the marketability of their services in San Diego by not allowing them to carry the Cox owned 4SD the local rightsholder of San Diego Padres baseball 48 49 Regulation of set top boxes Edit Under the Telecommunications Act of 1996 the FCC was instructed to develop a means for television providers to offer a standalone conditional access module for digital cable services in order to allow third party devices to access the services as an alternative to a proprietary set top box provisioned by the MVPD In 1998 the FCC ordered that a modular security component must be made available by July 1 2000 and that cable providers must phase out the provision of hardware with integrated conditional access or security functions by January 1 2005 52 An industry consortium known as CableLabs officially introduced a standard known as CableCARD in 2003 to comply with this mandate These cards could be inserted into slots on devices such as televisions and digital video recorders to allow access to digital cable channels without a set top box CableCARDs were cheaper to rent than a cable box but the first version of the standard did not support two way communications for interactive services such as video on demand or pay per view facilities thus giving the system a disadvantage over cable boxes 53 54 55 The integration ban was delayed until and officially took effect on July 1 2007 The cable industry lobbied for the ban to be delayed citing factors such as a lack of demand for the CableCARDs a factor induced by the cost of devices which supported them as well as its limitations on two way services especially due to the growing video on demand market and switched video a technique that enabled an increase in capacity for high definition channels 54 56 In 2008 the industry attempted to adopt a middleware standard known as tru2way which did not require a smart card and would support two way services delivered directly to devices However tru2way had limited to no consumer adoption despite most major providers pledging to deploy it by mid 2009 Panasonic only sold compatible televisions in three Comcast test markets before discontinuing them in 2010 in favor of a set back box 54 55 57 58 59 The integration ban was repealed in 2015 as a condition of the STELA Reauthorization Act of 2014 55 60 61 In 2010 the FCC issued a notice of inquiry proposing a concept known as AllVid which involved the introduction of adapters that would abstract television services from the devices which deliver them allowing the development of devices that could converge subscription television with internet video The FCC stated that it was not convinced that the tru2way solution will assure the development of a commercial retail market as directed by Congress 62 Despite support by major firms such as Sony and Google the latter having recently launched a digital media player platform known as Google TV AllVid was widely opposed by the multichannel industry as well as the Motion Picture Association of America who argued that copyright infringing media sources could be presented alongside legitimate options in search interfaces 63 64 65 66 Also in 2010 the U S government passed the Twenty First Century Communications and Video Accessibility Act which requires that televisions and MVPD set top boxes be accessible to those who are blind and visually impaired including support for audio description 67 In 2016 the FCC under chairman Tom Wheeler voted 3 2 to authorize a notice of proposed rulemaking proposing that MVPDs be required to make their programming and other related data be available to the creators of competitive solutions using any published transparent format that conforms to specifications set by an independent open standards body 68 The cable industry opposed this proposal due to the lack of control they would have on the user experience citing the possibility that third party developers could inject their own advertising into the interface even though the proposal specified that there would be regulations against this 68 They instead proposed an industry commitment for television providers with more than 1 million subscribers to develop apps to access their services on major connected devices using HTML5 standards Public Knowledge questioned the proposal arguing that the provision of the apps and whether consumers would need a broadband connection to access video programming instead of leveraging their existing pay TV connections were unclear and that it does not allow for many features that consumers want such as home recording and it does not allow for true user interface competition 69 In January 2017 new Trump administration FCC commissioner Ajit Pai who voted against it removed Wheeler s set top box proposal from the FCC s items on circulation 65 In 2020 the FCC withdrew the requirement for television providers to specifically support CableCARD citing changes in the industry and a lack of consumer interest The FCC still mandates that MVPDs must still offer separable security 70 Linear online video providers Edit The increasing prominence of linear IPTV services delivered entirely over the public internet also referred to as an over the top television service linear online video provider OVD or virtual MVPD 71 72 has led to questions over whether they can be regulated by the FCC in the same way as traditional television providers 73 A key sticking point is the established standard in case law that a television provider must control the entire infrastructure used to distribute their channels in order to be classified as a multichannel video programming distributor which does not take into account the public internet 2 Sky Angel a Christian over the top IPTV service which formerly operated as a satellite provider was faced with multiple carriage disputes over the changes In 2009 C SPAN was pulled only 2 days after it was added with the network citing contractual issues which prevented Sky Angel from streaming the channel Sky Angel filed antitrust lawsuits against C SPAN in 2012 and 2013 claiming that its ownership group which is composed of competing television providers was colluding against Sky Angel to protect their business and pointed out that C SPAN already streamed its programming online for free The suits were dismissed for presenting insufficient evidence of antitrust violations 74 75 In 2010 Discovery Communications also pulled its networks from Sky Angel prompting the provider to file a formal complaint under the Cable Television Consumer Protection and Competition Act Sky Angel argued that Discovery was discriminating against its service because it had allowed other providers to stream its programming online through other manners such as TV Everywhere services The FCC denied the complaint but its Media Bureau acknowledged that OVDs did not formally fall under the definition of an MVPD because they did not control a physical transmission path Sky Angel was thus ineligible for protections under the program access rules and other relevant laws but the Media Bureau did open a discussion on whether an OVD could qualify as an MVPD Members of the cable industry supported this historic interpretation of the law while it was also argued that classifying streaming services as MVPDs would increase regulatory burden and discourage innovation by digital services 2 76 77 78 Another prominent case was that of Aereo the service allowed users to rent an antenna from a centralized location and stream feeds of local broadcast television channels received via the antenna By doing so Aereo argued that its service was a placeshifting solution that rented access to hardware and thus did not require permission from broadcasters to retransmit their programming However the U S Supreme Court ruled in American Broadcasting Cos v Aereo Inc that this violated copyright law as the streams still constituted an unauthorized public performance and that despite claims to the contrary its business model was substantially similar to that of a cable television provider but the Court did not go as far as claiming Aereo was an MVPD 79 80 The company attempted to use this ruling in an effort to apply for a compulsory license from the U S Copyright Office instead However international treaties forbid the establishment of blanket licenses for streaming broadcast television stations over the internet thus the Copyright Office ruled that this was outside of its scope 81 82 83 84 85 In 2019 a similar service emerged known as Locast Unlike Aereo it was run by a non profit advocacy group rather than a commercial entity and asserts itself as being a non profit broadcast relay station which are exempted under U S copyright law that collected donations from users to cover the actual and reasonable costs of providing the relay Locast was a free service but periodically interrupted programming to solicit for donations until one was made 86 In September 2021 the service shut down after U S District Court Judge Louis Stanton denied a request by Locast for a summary judgment in a similar lawsuit brought upon by the networks Stanton described Locast s periodic interruptions as being a charge and not merely a recurring gift to a charitable cause and also singled out that the company had derived revenue double its operating expenses and had stated that it planned to use its donations to cover expansion which is not covered by the exemption in copyright law 87 88 89 Programming EditCarriage and cost of service Edit See also Carriage dispute and Retransmission consent Many cable channels charge providers fees in order to carry their content The fee that the cable service provider must pay to a cable television channel can vary depending on whether it is a basic or premium channel and the perceived popularity of that channel As providers are not required to carry all channels they may negotiate the fee they will pay for carriage of particular services Typically more popular channels command higher fees for example ESPN typically charges 10 per month for its suite of networks 7 for the main channel alone by far the highest of any non premium American cable channel comparable to the premium channels and rising rapidly 90 ESPN and other regional sports networks as well as retransmission consent negotiations by broadcast television outlets have frequently been cited as contributing to the increasing cost of television subscriptions 28 29 Statistics EditLargest ad supported cable channels Edit Top 10 advertising supported cable channels by viewership 2016 91 Rank Channel Avg Viewers1 Fox News Channel 2 480 0002 ESPN 1 910 0003 USA Network 1 680 0004 TBS 1 590 0005 HGTV 1 580 0006 TNT 1 550 0007 Discovery Channel 1 400 0008 History 1 330 0009 Disney Channel 1 320 00010 CNN 1 300 000Top multichannel video service providers in the United States by number of subscribers Edit All data from Leichtman Research Group Inc as of the end of Q1 2023 except where otherwise noted 92 Rank Company Brand Total subscribers Technology Date source1 Comcast Xfinity 14 980 000 Cable Q2 2023 93 2 Charter Communications Spectrum 14 700 000 Cable Q2 2023 94 3 DirecTV DirecTV U verse TV DirecTV Stream 12 750 000 Satellite IPTV OTT Q1 20234 Dish Network Dish Network 6 900 000 Satellite Q2 2023 95 5 YouTube Google YouTube TV 6 600 000 OTT Q2 2023 96 6 Disney Hulu Live TV 4 300 000 OTT Q2 2023 97 7 Verizon Fios 3 225 000 Fiber Q1 20238 Cox Communications Contour 3 050 000 Cable Q1 20239 Altice USA Optimum 2 475 800 Cable Q1 202310 Dish Network Sling TV 2 000 000 OTT Q2 2023 95 11 FuboTV FuboTV 1 167 000 OTT Q2 2023 98 12 Mediacom Xtream 510 000 Cable Q1 202313 Cogeco Breezeline 300 684 Cable Q1 202314 Frontier Communications Frontier Fiber 288 000 Fiber Q1 202315 Cable One Sparklight 167 000 Cable Q1 2023See also EditList of multiple system operators Network era Multi channel transition Post network era Golden Age of Television 2000s present Streaming televisionReferences Edit The top 6 cable satellite and telco pay TV operators in Q4 Ranking Comcast Charter and more FierceCable 15 March 2017 Retrieved 2018 01 27 a b c d What Is an MVPD Exactly Cable Ops Weigh In Multichannel 21 May 2012 Retrieved 2018 01 28 Pay TV Universe Shrinks to 79 of U S Households Multichannel News Retrieved 2018 01 27 Spangler Todd 2017 09 13 Cord Cutting Explodes 22 Million U S Adults Will Have Canceled Cable Satellite TV by End of 2017 Variety Retrieved 2018 01 27 Kennedy Sam 4 March 2007 Cable TV invented in Mahanoy City The Morning Call Allentown PA a b McCormick Lynde 1980 01 17 When you re the boss Christian Science Monitor a b Reibstein Larry 1981 11 20 Cable Television Scrambles for Some Room on a Satellite The Philadelphia Inquirer p B14 Reibstein Larry 1981 09 27 Watching TV Via Satellite Is Their Dish The Philadelphia Inquirer p E01 Berger Dan 1984 07 15 Linkabit s success is built on intellectual curiosity The San Diego Union p I 1 Stecklow Steve 1984 07 07 America s Favorite Dish The Miami Herald Knight Ridder News Service p 1C a b Wolf Ron 1983 11 22 Satellite Television The Future Is Now The Philadelphia Inquirer p D01 Stecklow Steve 1984 05 06 New Service Offers Stations Via Satellite No Cable Necessary The Philadelphia Inquirer p P09 a b Stecklow Steve 1984 09 30 Change Is Near for Satellite Service The Philadelphia Inquirer p P10 Clark Kenneth R 1983 01 25 TV s New Frontier Outer Space Miami Herald United Press International p 23D a b c Borowski Neill 1983 12 18 Defunct Pay TV Firm May Abandon Antennas The Philadelphia Inquirer p C10 a b c Wolf Ron 1985 01 20 Direct Broadcast TV Is Still Not Turned On The Philadelphia Inquirer p C01 a b Wolf Ron 1984 04 30 Satellite Television Service Gets More Susbscribers Than Expected The Philadelphia Inquirer p D07 Wolf Ron 1985 04 02 Satellite TV Service Goes Off the Air The Philadelphia Inquirer p E08 Stecklow Steve 1985 04 28 Problems of Satellite TV Service Leave Viewers with Empty Dishes The Philadelphia Inquirer p M11 Dawidziak Mark 1984 12 30 Satellite TV Dishes Getting Good Reception Akron Beacon Journal p F 1 Takiff Jonathan 1987 05 22 Satellite Tv Skies Brighten As War With Programmers Ends Chicago Tribune Knight Ridder Newspapers Retrieved 2014 04 10 a b Cheer for the Chairman Broadcasting amp Cable 2012 05 28 a b c Boraks David 1997 01 19 The Dish Gets Hot The Charlotte Observer p 1D Sandi Towers 2008 Media and Entertainment Law Cengage Learning pp 181 82 ISBN 978 1418039127 Guerrero Lucio 2001 01 09 Dishes gain on cable TV Cost features nudge viewers to satellites Chicago Sun Times p 12 Belson Ken 2005 09 23 Verizon Introduces Fiber Optic TV Service The New York Times ISSN 0362 4331 Retrieved 2018 01 30 AT amp T launches U verse in Columbus Ledger Enquirer Retrieved 2018 01 30 a b Worden Nat 2014 06 24 If you haven t cut the cord on cable TV you should MarketWatch Retrieved 2015 01 07 a b James Meg 5 December 2016 The rise of sports TV costs and why your cable bill keeps going up Los Angeles Times Retrieved 2018 01 27 Ramachandran Shalini 2012 08 08 Evidence Grows on TV Cord Cutting Wall Street Journal ISSN 0099 9660 Retrieved 2018 01 27 a b Spangler Todd October 17 2011 How Critical Is TV Everywhere Multichannel News NewBay Media Retrieved January 2 2014 Perez Sarah YouTube TV and Hulu Live TV now have hundreds of thousands of subscribers says report TechCrunch Retrieved 2018 01 27 Mike Farrell January 13 2015 Dish Unveils Sling TV Multichannel News NewBay Media Retrieved January 13 2015 Jeff Berman January 9 2015 Dish Network Doesn t Want Sling TV to Become Too Popular TheStreet Retrieved January 13 2015 Wolk Alan June 30 2018 vMVPDs Are Getting More Expensive Here s Why Consumers Might Be OK With That Forbes Retrieved May 1 2019 Hulu Live TV Jumps to No 1 Among vMVPDs Raises Prices Daniel Frankel Multichannel 15 November 2019 Comcast s new streaming service is not as terrible as you might think TechHive IDG 23 July 2015 Retrieved 21 April 2016 Xfinity Internet Stream Engadget July 12 2015 Statt Nick November 9 2015 Time Warner Cable tests replacing your cable box with a Roku The Verge Lawler Richard October 23 2015 Time Warner Cable will test internet only TV in NYC next week Engadget Waniata Ryan October 26 2015 Time Warner Cable goes after cord cutters with new Internet TV service free Roku Digital Trends As Subscription Fatigue Sets In the OTT Reckoning May Be Upon Us Adweek 21 March 2019 Retrieved 2019 03 22 Average spending on OTT services has stayed flat for 3 years Parks Associates says FierceVideo 20 March 2019 Retrieved 2019 03 22 Frankel Daniel 2019 04 02 vMVPD Users Definitely Not Cord Nevers Only 15 Previously Had No Pay TV Multichannel News Retrieved 2019 05 02 a b Analyst Kevin McCarthy Principal HISTORY OF CABLE TV REGULATION Connecticut Office of Legislative Research Retrieved 2018 01 27 a href Template Cite web html title Template Cite web cite web a CS1 maint multiple names authors list link Myers John M Schuering Daniel P 1991 Cable Television Franchise Renewals A Primer Illinois Municipal Review Illinois Municipal League 22 Retrieved 2011 03 15 Meyerson Michael I 1985 The Cable Communications Policy Act of 1984 A Balancing Act on Coaxial Wires Georgia Law Review University of Baltimore School of Law Research Paper 19 3 543 662 SSRN 1605276 a b FCC Votes To Close Terrestrial RSN Exemption Count Is 4 1 McDowell Expects To See Court Challenge Multichannel Retrieved 2010 03 15 a b FCC throws Cox a curve on Padres San Diego Union Tribune Retrieved 7 October 2012 Schindler Harold 1993 06 15 KSL Puts Cable on Notice The Salt Lake Tribune p C7 Cable Television Consumer Protection and Competition Act of 1992 PDF FCC Retrieved January 26 2018 First FCC Report and Order Commercial Availability of Navigation Devices PDF FCC 1998 06 24 Retrieved 2006 12 26 FAQ CableCard What s that CNET 2005 01 20 Retrieved 2018 01 30 a b c Can Tru2way succeed where CableCard failed CNET 2008 05 28 Retrieved 2018 01 30 a b c How Big Cable killed the open set top box and what to do about it Ars Technica Retrieved 2018 01 30 Set top shakeup is in the cards CNET 2007 07 01 Retrieved 2018 01 30 Panasonic Stops Selling Tru2way HDTVs Multichannel 29 July 2010 Retrieved 2018 01 30 Retail tru2way devices are officially DOA even Panasonic stops trial Engadget Retrieved 2018 01 30 Tru2way plug and play digital cable support still AWOL Ars Technica Retrieved 2018 01 30 NCTA Waves Goodbye to Set Top Integration Ban Multichannel Retrieved 2018 01 30 Eggerton John 2009 12 14 Broadcasters Squeezed by Convergence Push Broadcasting amp Cable Retrieved 2009 12 17 AllVid Notice of Inquiry p 5 25 FCC Rcd 4279 adopted April 21 2010 Hollywood Google TV would put us on board big pirate ship Ars Technica Retrieved 2018 01 30 Goodbye CableCARD hello AllVid Ars Technica Retrieved 2018 01 30 a b FCC Chairman Pai takes Wheeler s set top box plan off the table Ars Technica Retrieved 2018 01 30 Google Best Buy and Sony ally against Big Cable Ars Technica Retrieved 2018 01 30 Pike George H 2010 10 11 President Obama Signs the 21st Century Communications and Video Accessibility Act Information Today Retrieved 2019 04 15 a b FCC votes to unlock the cable box over Republican opposition Ars Technica Retrieved 2018 01 30 Cable industry offers set top box compromise to avoid stricter regulation Ars Technica Retrieved 2018 01 30 September 2020 Gary Arlen 10 2020 09 10 FCC Abandons CableCARD Navigation Devices Rule Review Multichannel News Retrieved 2021 07 31 Virtual MVPDs will control 14 of U S pay TV market by 2030 research firm TDG predicts FierceCable 29 November 2017 Retrieved 2018 01 28 Baumgartner Jeff 2018 04 30 Syncbak Syncs With vMVPDs Broadcasting amp Cable 17 FCC s Wheeler on OVD NPRM Stay Tuned Broadcasting amp Cable 17 October 2014 Retrieved 2018 01 28 Court Dismisses Sky Angel Suit Against C SPAN Multichannel News Retrieved 26 August 2013 Strike Two For Sky Angel Antitrust Claim Against C SPAN Broadcasting amp Cable 31 March 2014 Retrieved 2017 07 14 Sky Angel Files Program Access Complaint Against Discovery Multichannel News Retrieved 27 August 2013 Bedeviled By Sky Angel Decision Multichannel News Retrieved 27 August 2013 Fear and Loathing Over The Top Multichannel News Retrieved 27 August 2013 Aereo loses to broadcasters in Supreme Court fight for its life The Verge 25 June 2014 Retrieved 28 June 2014 Breyer J June 2014 American Broadcasting Company et al v Aereo Inc PDF a href Template Cite journal html title Template Cite journal cite journal a Cite journal requires journal help Fung Brian 2014 07 11 No Aereo isn t really claiming to be a true cable company Washington Post ISSN 0190 8286 Retrieved 2018 01 28 Aereo Oops We Meant to Say Cable Broadcasting amp Cable 21 July 2014 Retrieved 2018 01 28 Johnson Ted 2013 11 17 NFL Major League Baseball Warn That Aereo Could Trigger End of Free TV Game Broadcasts Variety Retrieved 2018 01 28 Johnson Ted 2014 07 17 Copyright Office Rejects Aereo s Effort to Qualify as a Cable Company Variety Retrieved 2018 01 28 Federal Judge Nixes Aereo s Latest Strategy Broadcasting amp Cable 23 October 2014 Retrieved 2018 01 28 Krasnoff Barbara 2019 02 25 Locast review free local programming with a catch The Verge Retrieved 2019 03 22 Keys Matthew August 31 2021 Judge deals blow to Locast in suit brought by broadcasters FierceVideo Retrieved 2021 09 01 Gardner Eriq 2021 08 31 Broadcasters Score Big Legal Win Against Locast a Popular App Streaming Network TV The Hollywood Reporter Retrieved 2021 09 01 AMERICAN BROADCASTING COMPANIES INC et al v DAVID R GOODFRIEND and SPORTS FANS COALITION NY INC UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK August 31 2021 Text Nocera Joe April 28 2017 ESPN Can t Afford to Go On Like This Bloomberg com Retrieved April 28 2017 Cable TV Rankings 2016 Presidential Politics Fuels Ratings Gains Deadline com 2016 12 20 Retrieved 2017 03 07 YouTube TV Is Now the 5th Largest U S Pay TV Operator With 5 7 Million Subs Estimate 2 March 16 2023 Retrieved 24 May 2023 Charter Set to Surpass Comcast as the Biggest Remaining Linear Pay TV Supplier in America 27 July 2023 Charter sheds 200 000 Spectrum TV customers sees increase in mobile customers during Q2 2023 28 July 2023 a b DISH amp Sling TV Lost 294 000 Subscribers in the 2nd Quarter of 2023 8 August 2023 As Cable TV is Losing Millions of Subscribers YouTube TV is Now the 5th Largest TV Provider amp Could Soon be the 4th Largest 4 August 2023 Hulu Live TV Subscribers Drop to 4 3 Million 9 August 2023 Fubo customer base shrinks to 1 167 million revenue falls 3 6 percent during Q2 2023 4 August 2023 External links Edit2005 Annual FCC Assessment of the Status of Competition in the Market for the Delivery of Video Programming needs update Retrieved from https en wikipedia org w index php title Multichannel television in the United States amp oldid 1178449336, wikipedia, wiki, book, books, library,

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